Article 27 Jan 2021 Treasury Finalizes Section 162(f) Regulations On The Deductibility Of Amounts Paid To, Or At The Direction Of, A Governmental Entity United States Government
Article 12 Jan 2021 New Final Regulations Issued Under Section 163(j) Provide Helpful Clarification United States Tax
Article 22 Oct 2020 IRS Releases Additional Tax Guidance On The Transition From Interbank Offered Rates United States Finance
Article 10 Jun 2020 Proposed Treasury Regulations Clarify Requirements For Deducting Restitution And Legal Compliance Costs Under Section 162(f) United States Finance
Article 18 Dec 2019 Final And Proposed TCJA Foreign Tax Credit Regulations Create Traps And Opportunities United States Tax
Article 12 Dec 2019 Treasury And IRS Issue Final Regulations On Base Erosion And Anti-Abuse Tax (The BEAT) United States Commercial
Article 29 Oct 2019 IRS Issues Virtual Currency Tax Guidance On Forks And Airdrops United States Technology
Article 21 Oct 2019 Treasury And The IRS Release Tax Guidance On The Transition From Interbank Offered Rates United States Finance
Article 04 Sep 2019 Tax Guidance On The Transition From Interbank Offered Rates Under OIRA Review United States Tax
Article 03 Jul 2019 Ninth Circuit Redo In Altera Upholds Treasury Regulation On Stock-Based Compensation United States Tax
Article 03 Jul 2019 Final GILTI Regulations And Proposed Regulations On Subpart F Income And GILTI Bring Relief To Private Equity And Other Non-Corporate Investors United States Commercial
Article 20 Dec 2018 Base Erosion And Anti-Abuse Tax (BEAT): Government Issues Proposed Regulations United States Finance
Article 09 Nov 2018 Regulations Proposed To Reduce Tax On Income Inclusions Under Section 956 United States Tax
Article 03 Aug 2018 Altera: Ninth Circuit Reverses US Tax Court And Holds That Treasury Regulation Allocating Stock-Based Compensation Expenses Is Valid United States Tax
Article 05 Oct 2017 Trump Administration And Congressional Leaders Release Tax Reform Framework United States Tax
Article 02 Oct 2017 IRS Expands Scope Of Spin-Off Private Letter Rulings In 18-Month Pilot Program United States Tax